frame

Download Attachments

news

Comments concerning the OECD’s document “BEPS Action 10 - Proposed modifications to Chapter VII of the Transfer Pricing Guidelines relating to low value-adding intra-group services”

On January 14th 2015, Chiomenti Studio Legale, Cuatrecasas Gonçalves Pereira, Gide Loyrette Nouel and Gleiss Lutz submitted to the OECD "Centre for Tax Policy and Administration" several comments concerning the OECD’s document "BEPS Action 10 - Proposed modifications to Chapter VII of the Transfer Pricing Guidelines Relating to low value-adding intra-group services" in order to actively contribute to the development of the public consultation started by the OECD regarding the contrast of the taxable base erosion.